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IN THE CIRCUIT COURT OF THE FIFTEENTH
JUDICIAL CIRCUIT, IN AND FOR PALM
BEACH COUNTY, FLORIDA
CASE NO.:
MARSHA A. NORFUS,
Plaintiff, . 50 nu ¢
NADINE EDERY, JOSEPH EDERY,
and ARIE SEDAN SERVICE,
v.
Defendants.
REQUEST FOR ADMISSIONS DIRECTED TO DEFENDANT, E “ .
NADINE EDERY
COMES NOW the Plaintiff, MARSHA A. NORFUS, by and through her
undersigned counsel and pursuant to the Florida Rules of Civil Procedure 1.370, propounds
the following request for admissions to Defendant, NADINE EDERY, and requests the
Defendant to admit or deny the following:
i That at all times material hereto, the Defendant, NADINE EDERY, is and
was a resident of Palm Beach County, Florida.
2. That the Defendant, ARIE SEDAN SERVICE, was and is a business
authorized to do business and conducting business in Palm Beach County, Florida and
owned by Defendant, NADINE EDERY.
3. On or about June 21, 2006, the Defendant, NADINE EDERY was the
registered owner of ARIE SEDAN SERVICE, 1801 Vision Drive Palm Beach Gardens, FL
33418.4. On or about June 21, 2006, the Defendant, NADINE EDERY, through her
company, ARIE SEDAN SERVICE, owned a motor vehicle that was being operated with
her full knowledge and consent by Defendant, JOSEPH EDERY, in West Palm Beach,
Palm Beach County, Florida.
5. At the time and place aforementioned, the Defendant, JOSEPH EDERY, so
negligently operated and maintained his motor vehicle so as to cause it to come in contact
with a motor vehicle owned and operated by the Plaintiff, MARSHA A. NORFUS.
6. That as a result of the above referenced automobile accident, the Plaintiff,
MARSHA A. NORFUS, suffered permanent bodily injury and resulting pain and suffering.
I HEREBY CERTIFY that a true and correct copy of the foregoing has been
served with the Complaint.
SCHULER, HALVORSON
& WEISSER, P.A.
Attorneys for the Plaintiff
1615 Forum Place, Suite 4-D
Barristers Building
West Palm Beach, FL 33401
(561) 689-8180
py AD Sez
RICHARD D. SCHULER
Florida Bar No.: 158226